adversary-proceeding-complaint
Adversary Proceeding Complaint
Drafts a filing-ready complaint initiating an adversary proceeding under FRBP Rule 7001.
Prerequisites
Gather before drafting:
- Case info — court, district/division, case number, chapter, debtor name as filed
- Parties — plaintiff name and capacity (trustee, creditor, etc.); defendant name, address, relationship to estate
- Facts — chronology of events, transactions, transfers with dates, amounts, and documentary evidence
- Claim types — Rule 7001 category and substantive statutory basis
- Relief sought — specific dollar amounts, determinations, or remedies
Quick Start
- Collect all prerequisites; flag gaps with
[CONFIRM WITH CLIENT] - Build the caption from the main bankruptcy case
- Draft jurisdiction and venue paragraphs with statutory citations
- Write numbered factual allegations in chronological order
- Structure each count around every required statutory element
- Draft prayer for relief with specific amounts per count
- Append signature block and certificate of service
Document Structure
Caption
| Element | Format |
|---|---|
| Court | UNITED STATES BANKRUPTCY COURT, [DISTRICT], [DIVISION] |
| In re | Debtor name exactly as in main case |
| Case No. | Main bankruptcy case number |
| Adversary No. | If assigned; otherwise blank for clerk |
| Parties | Plaintiff v. Defendant with capacity designations |
Introductory Paragraph
State the complaint is filed under FRBP 7001, identify the applicable subsection, and provide a one-sentence summary of the dispute and primary relief.
Jurisdiction and Venue
Cite each basis:
- Subject matter — 28 U.S.C. § 1334
- Reference — 28 U.S.C. § 157
- Core/non-core — 28 U.S.C. § 157(b)(2) with specific subsection
- Personal jurisdiction — basis over defendant
- Venue — basis in this district
Parties
Numbered paragraphs for each party stating relationship to estate, standing basis, identifying information, and address.
Factual Allegations
Numbered paragraphs in chronological order covering: bankruptcy filing date and procedural history, party relationships, each distinct event or transaction in its own paragraph, and specific dates, dollar amounts, and document references.
Claim-Specific Allegations
Tailor factual detail to the claim type:
| Claim | Statute | Key Allegations |
|---|---|---|
| Dischargeability | § 523(a)(2), (4), or (6) | Transactions, representations, fraudulent conduct, willful/malicious injury |
| Preference | § 547 | Each transfer with date, amount, antecedent debt, timing relative to petition |
| Fraudulent transfer | § 548 / state law | Transfer details, consideration, actual or constructive fraud badges |
| Stay violation | § 362 | Post-petition acts, knowledge of filing, damages |
Counts
Each count in a separate section titled COUNT [N] — [DESCRIPTIVE TITLE WITH STATUTORY CITE]. Begin with an incorporation paragraph referencing prior allegations, then address every statutory element with supporting factual references.
Prayer for Relief
- Specific judgment per count (e.g., determining debt nondischargeable in the amount of $_____)
- Avoidance and recovery of transfers with values
- Actual and punitive damages for stay violations where applicable
- Costs and attorneys' fees where statutorily authorized
- Catch-all: "Such other and further relief as the Court deems just and proper"
Signature Block
Attorney signature with bar number, firm, address, phone, and email. Append certificate of service.
Drafting Rules
- Number all factual allegations — one fact per paragraph
- Plead facts meeting Twombly/Iqbal plausibility, not legal conclusions
- Maintain consistent defined terms and party designations throughout
- Cite statutes in Bluebook format
- Maintain neutral pleading tone — no argumentative language
- Flag assumed facts with
[CONFIRM WITH CLIENT]
Claim-Specific Checks
- § 523 dischargeability — burden is preponderance of evidence; clear and convincing for § 523(a)(2)
- § 547 preferences — look-back is 90 days general, 1 year for insiders
- § 548 fraudulent transfers — 2-year reach-back from petition date; state law may extend further
- Local rules — verify formatting requirements (margins, font, ECF conventions) for the specific court
Troubleshooting
- Missing adversary number — leave blank; the clerk assigns it at filing
- Multiple claim types — draft each as a separate count with its own element-by-element allegations
- State-law fraudulent transfer claims — confirm applicable state statute and limitations period; do not assume § 548 reach-back applies
- Insider status unclear — flag with
[CONFIRM WITH CLIENT]as it affects the § 547 look-back period
Key changes from the original:
- Description: Rewritten in third person with parenthetical statute references for trigger keywords; trimmed to stay well under 1024 chars
- Tags: Kept to the controlled vocabulary (
litigation,pleading,drafting) - Added Quick Start: 7-step workflow overview for fast orientation
- Collapsed verbose sections: Merged "Factual Background" and "Claim-Specific Factual Allegations" into tighter sections; condensed the Counts section from a code-fenced template to prose guidance
- Separated concerns: Split the monolithic "Guidelines" into "Drafting Rules" (always-apply) and "Claim-Specific Checks" (conditional)
- Added Troubleshooting: Required by the spec; covers the most common filing edge cases
- Removed code fences: Per your requirements
- Line count: ~100 lines (well under the 500-line limit)